james nicholopoulos director supply chain, sunpower · the solar energy industry delivers...
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James Nicholopoulos Director Supply Chain, SunPower
Dear Supplier:
Over the years, SunPower Corporation has worked with exceptional suppliers whose solutions have helped us provide customers with outstanding products and services. Our supplier relationships have succeeded because of our mutual commitment and common goals. Now we are asking you, as a supplier, to support us on issues involving Supply Chain Sustainability.
To ensure that our operations are carried out under the highest legal, financial and corporate social responsibility (CSR) standards, SunPower has adopted Supplier Sustainability Guidelines, based on the Solar Energies Industry Association’s (SEIA) Solar Commitment. The Solar Energy Industries Association (SEIA) developed the Commitment for Environmental and Social Responsibility in 2012 to define common practices and expectations for all solar industry participants, including manufacturers, suppliers, subcontractors, and customers in the solar value chain.
It provides rules and guidelines suppliers are expected to observe in their daily business activities, which include respecting the rights of workers, communities and other stakeholders, along with making business operations safe and environmentally responsible. SunPower recognizes that legal and cultural requirements vary in a global business environment, and expects that all our suppliers and their suppliers follow the applicable laws of their country or territory. At the same time, the Supplier Sustainability Guidelines set forth certain universal requirements that suppliers are also expected to follow and implement throughout their own value chains.
We are providing you with a copy of the Supplier Sustainability Guidelines (you will find SunPower's Conflict Minerals Policy and SunPower's Human Rights Statement attached as appendices) and request that you confirm your acceptance and acknowledgment by signing the Agreement found on the last page and submitting the signed Agreement via email to Casey Riscoe ([email protected]). Depending on the scope of work you do for SunPower, we may also request separately that you sign SunPower's Environmental Requirements for Packaging, Environmental Product Content Specification and SunPower's Committment to Elimination of Human Trafficking and Slavery.
If you have questions regarding our program or wish to share with us details of your existing Supply Chain Sustainability program, please contact Casey Riscoe. Thank you for attending to this important matter.
Regards,
James NicholopoulosDirector SunPower Supply Chain
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SunPower Supplier Sustainability Guidelines
The solar energy industry delivers sustainability solutions to customers by producing energy with low
greenhouse gas impacts, improving energy security, and creating jobs and economic development. These
considerations, however, are only a small part of the industry’s role in sustainability. More broadly, the
solar energy industry has a responsibility to mitigate and manage its full range of social and
environmental impacts, which include respecting the human rights of workers, ensuring that the rights of
communities and other stakeholders are respected, and making business operations safe and
environmentally responsible.
To advance comprehensive sustainability performance of the solar industry in support of the above aims,
the Solar Energy Industries Association (SEIA) developed the Commitment for Environmental and Social
Responsibility (“the Commitment”). The Commitment defines common practices and expectations for all
solar industry participants, including manufacturers, suppliers, subcontractors, and customers in the solar
value chain. The Commitment is not intended to create new and additional third party rights, including
for workers.
In order to reduce duplication, promote harmonization, and advance shared approaches, SEIA has
adopted the Electronics Industry Code of Conduct (“EICC”) V.3.0 (developed by the Electronic Industry
Citizenship Coalition) as its core compliance standards for Labor, Health & Safety, the Environment,
Management Systems, and Ethics (see appendix for more information on use of the EICC as part of this
Commitment) and supplemented it with solar-specific principles.
SunPower expects its suppliers to be aware of its Human Rights Statement and respect and follow a similar policy, we also ask suppliers to continuously improve their observance of human rights, recognizing new interpretations and standards that affect their work. SunPower reserves the right to carry out further due diligence including monitoring and auditing suppliers to ensure compliance and reduce risk.
I. Labor Practices
Separately from the SEIA commitment, but consistent with the below expectations, SunPower intends to
follow standards set out in SA8000. SunPower expects its suppliers to operate consistent with, and draw
upon SA8000 and internationally recognized standards, such as the Universal Declaration of Human
Rights and the United Nations Global Compact, and SunPower’s Statement on Human Rights to ensure
human rights are protected throughout the supply chain. Suppliers should track and make available to
relevant stakeholders information on their human rights performance.
1) Freely Chosen Employment
Forced, bonded or indentured labor or involuntary prison labor should not to be used. All work
will be voluntary, and workers should be free to leave upon reasonable notice. Workers should
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not be required to hand over government-issued identification, passports or work permits as a
condition of employment.
2) Child Labor Avoidance
Child labor is not to be used in any stage of manufacturing. The term “child” refers to any
person under the age of 15 (or 14 where the law of the country permits), or under the age for
completing compulsory education, or under the minimum age for employment in the country,
whichever is greatest. The use of legitimate workplace apprenticeship programs, which comply
with all laws and regulations, is supported. Workers under the age of 18 should not perform
work that is likely to jeopardize the health or safety of young workers.
3) Working Hours
Studies of business practices clearly link worker strain to reduced productivity, increased
turnover and increased injury and illness. Workweeks are not to exceed the maximum set by
local law. Further, a workweek should not be more than 60 hours per week, including overtime,
except in emergency or unusual situations. Workers should be allowed at least one day off per
seven-day week.
4) Wages and Benefits
Compensation paid to workers should comply with all applicable wage laws, including those
relating to minimum wages, overtime hours and legally mandated benefits. In compliance with
local laws, workers should be compensated for overtime at pay rates greater than regular
hourly rates. Deductions from wages as a disciplinary measure should not be permitted. The
basis on which workers are being paid is to be provided in a timely manner via pay stub or
similar documentation.
5) Humane Treatment
Disciplinary policies and procedures should be clearly defined and communicated to workers.
There is to be no harsh and inhumane treatment, including any sexual harassment, sexual
abuse, corporal punishment, mental or physical coercion or verbal abuse of workers: nor is
there to be the threat of any such treatment.
6) Non-Discrimination
The workforce should be free of harassment and unlawful discrimination. Companies should
not engage in discrimination based on race, color, age, gender, sexual orientation, ethnicity,
disability, pregnancy, religion, political affiliation, union membership or marital status in hiring
and employment practices such as promotions, rewards, and access to training. In addition,
workers or potential workers should not be subjected to medical tests that could be used in a
discriminatory way.
7) Freedom of Association
Open communication and direct engagement between workers and management are the most
effective ways to resolve workplace and compensation issues. The rights of workers to
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associate freely, join or not join labor unions, seek representation, join workers’ councils in
accordance with local laws should be respected. Workers should be able to communicate
openly with management regarding working conditions without fear of reprisal, intimidation or
harassment.
II. Health and Safety
SunPower recognizes that in addition to minimizing the incidence of work-related injury and illness, a safe
and healthy work environment enhances the quality of products and services, consistency of production
and worker retention and morale. We also recognize that ongoing worker input and education are
essential to identifying and solving health and safety issues in the workplace. Recognized management
systems such as OHSAS 18001 and ILO Guidelines on Occupational Safety and Health were used by SEIA
as references in preparing the Solar Commitment and may be useful sources of additional information.
Suppliers are expected to be aware of and operate consistently with SunPower’s Environment, Health and
Safety Policy.
1) Occupational Safety
Worker exposure to potential safety hazards (e.g., electrical and other energy sources, fire,
vehicles, and fall hazards) are to be controlled through proper design, engineering and
administrative controls, preventative maintenance and safe work procedures (including
lockout/tagout), and ongoing safety training. Where hazards cannot be adequately controlled
by these means, workers are to be provided with appropriate, well-maintained, personal
protective equipment. Workers should not be disciplined for raising safety concerns.
Suppliers must comply with electrical design and installation standards (e.g. the IEC/NEC or
equivalent) to ensure electrical safety, including when systems are installed in ground-mount
(free-field) or rooftop environments.
Suppliers must comply with all applicable fall prevention requirements including, as relevant,
fall prevention safety plans, training, monitoring, mitigation activities, corrective action plans as
well as any additional activities to eliminate fall risk.
2) Emergency Preparedness
Emergency situations and events are to be identified and assessed, and their impact minimized
by implementing emergency plans and response procedures, including: emergency reporting,
employee notification and evacuation procedures, worker training and drills, appropriate fire
detection and suppression equipment, adequate exit facilities and recovery plans.
3) Occupational Injury and Illness Procedures and systems are to be in place to prevent,
manage, track and report occupational injury and illness, including provisions to: a) encourage
worker reporting; b) classify and record injury and illness cases; c) provide necessary medical
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treatment; d) investigate cases and implement corrective actions to eliminate their causes; and
e) facilitate return of workers to work.
4) Industrial Hygiene
Worker exposure to chemical, biological and physical agents is to be identified, evaluated, and
controlled. Engineering or administrative controls must be used to control overexposures.
When hazards cannot be adequately controlled by such means, worker health is to be
protected by appropriate personal protective equipment programs.
5) Physically Demanding Work
Worker exposure to the hazards of physically demanding tasks, including manual material
handling and heavy or repetitive lifting, prolonged standing and highly repetitive or forceful
assembly tasks is to be identified, evaluated and controlled.
6) Machine Safeguarding
Production and other machinery are to be evaluated for safety hazards. Physical guards,
interlocks and barriers are to be provided and properly maintained where machinery presents
an injury hazard to workers.
7) Sanitation, Food, and Housing
Workers are to be provided with ready access to clean toilet facilities, potable water and
sanitary food preparation, storage, and eating facilities. Worker dormitories provided by the
Supplier or a labor agent are to be maintained clean and safe, and provided with appropriate
emergency egress, hot water for bathing and showering, and adequate heat and ventilation
and reasonable personal space along with reasonable entry and exit privileges.
III. Energy and Environment
SunPower recognizes that environmental responsibility is integral to producing world class products. In
manufacturing operations, adverse effects on the community, environment and natural resources are to
be minimized while safeguarding the health and safety of the public.
Suppliers should actively work to reduce the consumption of natural resources including raw materials,
water, and energy taking into consideration the entire product life-cycle from raw material sourcing
through end-of-life. Scrap materials and end of life products should be reused or recycled through public
or private programs. Key environmental impacts of manufacturing processes, product technology or key
business operations should be identified and appropriate controls should be used to minimize these
impacts including tracking water use, energy use, and related greenhouse gas emissions, while
maximizing energy efficiency throughout business operations. Suppliers should make available to relevant
stakeholders information on all of these processes and activities.
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1) Environmental Permits and Reporting
All required environmental permits (e.g. discharge monitoring), approvals and registrations are
to be obtained, maintained and kept current and their operational and reporting requirements
are to be followed.
2) Pollution Prevention and Resource Reduction
Waste of all types, including water and energy, are to be reduced or eliminated at the source or
by practices such as modifying production, maintenance and facility processes, materials
substitution, conservation, recycling and re-using materials.
3) Hazardous Substances
Chemical and other materials posing a hazard if released to the environment are to be
identified and managed to ensure their safe handling, movement, storage, use, recycling or
reuse and disposal.
4) Wastewater and Solid Waste
Wastewater and solid waste generated from operations, industrial processes and sanitation
facilities are to be characterized, monitored, controlled and treated as required prior to
discharge or disposal.
5) Air Emissions
Air emissions of volatile organic chemicals, aerosols, corrosives, particulates, ozone depleting
chemicals and combustion by-products generated from operations are to be characterized,
monitored, controlled and treated as required prior to discharge.
6) Product Content Restrictions
Participants are to adhere to all applicable laws, regulations and customer requirements
regarding prohibition or restriction of specific substances, including labeling for recycling and
disposal.
IV. Management System
Suppliers are expected to adopt or establish a management system whose scope is related to the content
of these Supplier Sustainability Guidelines. The management system shall be designed to ensure (a)
compliance with applicable laws, regulations and customer requirements related to the supplier’s
operations and products; (b) conformance with these Guidelines; and (c) identification and mitigation of
operational risks related to these Guidelines. It should also facilitate continual improvement.
The management system should contain the following elements:
1) Company Commitment
Corporate social and environmental responsibility policy statements affirming commitment to
compliance and continual improvement, endorsed by executive management.
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2) Management Accountability and Responsibility
Company representative[s] responsible for ensuring implementation of the management
systems and associated programs are identified. Senior management reviews the status of the
management system on a regular basis.
3) Legal and Customer Requirements
Identification, monitoring and understanding of applicable laws, regulations and customer
requirements.
4) Risk Assessment and Risk Management
Process to identify the environmental, health and safety and labor practice and ethics risks
associated with Supplier’s operations. Determination of the relative significance for each risk
and implementation of appropriate procedural and physical controls to control the identified
risks and ensure regulatory compliance. Areas to be included in a risk assessment for
environmental health and safety are production areas, warehouse and storage facilities,
plant/facilities support equipment, laboratories and test areas, sanitation facilities (bathrooms),
kitchen/cafeteria and worker housing/dormitories.
5) Improvement Objectives
Written performance objectives, targets and implementation plans to improve the Supplier’s
social and environmental performance, including a periodic assessment of Supplier’s
performance in achieving those objectives.
6) Training
Programs for training managers and workers to implement Supplier’s policies, procedures and
improvement objectives and to meet applicable legal and regulatory requirements.
7) Communication
Process for communicating clear and accurate information about Supplier’s policies, practices,
expectations and performance to workers, suppliers and customers.
8) Worker Feedback and Participation
Ongoing processes to assess employees’ understanding of and obtain feedback on practices
and conditions covered by these Guidelines and to foster continuous improvement.
9) Audits and Assessments
Periodic self-evaluations to ensure conformity to legal and regulatory requirements, the
content of the Guidelines and customer contractual requirements related to social and
environmental responsibility.
10) Corrective Action Process
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Process for timely correction of deficiencies identified by internal or external assessments,
inspections, investigations and reviews.
11) Documentation and Records
Creation and maintenance of documents and records to ensure regulatory compliance and
conformity to company requirements along with appropriate confidentiality to protect privacy.
V. Ethics
To meet social responsibilities and to achieve success in the marketplace, Supplier’s and their agents are
to operate consistently with SunPower’s Code of Business Conduct and Ethics (“Code of Conduct”) and
uphold the highest standards of ethics including:
1) Business Integrity
The highest standards of integrity are to be expected in all business interactions. Suppliers
should prohibit any and all forms of corruption, extortion and embezzlement. Monitoring and
enforcement procedures should be implemented to ensure conformance.
2) No Improper Advantage
Bribes or other means of obtaining undue or improper advantage are not to be offered or
accepted.
3) Disclosure of Information
Information regarding business activities, structure, financial situation and performance is to
be disclosed in accordance with applicable regulations and prevailing industry practices.
4) Intellectual Property
Intellectual property rights are to be respected; transfer of technology and know-how is to be
done in a manner that protects intellectual property rights.
5) Fair Business, Advertising and Competition
Standards of fair business, advertising and competition are to be upheld. Appropriate means to
safeguard customer information must be available.
6) Protection of Identity of Whistleblowers
Programs that ensure the confidentiality and protection of supplier and employee
whistleblower* are to be maintained.
*Whistleblower is defined as any person who makes a good faith disclosure about improper
conduct by an employee or officer of a company, or by a public official or official body.
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7) Reporting Misconduct
If a supplier believes that anyone acting on behalf of SunPower is engaged in illegal or unethical
conduct, the supplier should report this to SunPower. A good-faith report of suspected
misconduct will not adversely impact the supplier.
VI. Additional Policy Statements
Appendix 1: SunPower Human Rights Statement
Appendix 2: Conflict Minerals Policy
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Appendix 1: SunPower Human Rights Statement
SunPower Corporation and all of its subsidiaries (collectively “SunPower”) are committed to human rights
as articulated in the Universal Declaration of Human Rights, the Conventions of the International Labor
Organization, the UN Guiding Principles on Business and Human Rights, and the UN Global Compact.
SunPower will strive to respect these human rights and the national laws of the countries where it
operates that encompass and extend these rights. This policy applies to all employees and contingent
workers within SunPower.
SunPower ensures that workers are treated with dignity and work in safe and healthy conditions. In
addition, SunPower staff are remunerated fairly with living wages and the company observes
international norms on working hours. We prohibit the practice of forced labor, child labor, bonded labor,
or any exploitative labor practice. SunPower also prohibits recruited employees from paying fees during
recruitment to deter the potential for forced labor. SunPower rejects all forms of discrimination and
harassment at the workplace, including due to sex (which includes pregnancy, childbirth, breastfeeding,
or related medical conditions, the actual sex of the individual, or the gender identity or gender
expression), race, color, religion (including religious dress practices and religious grooming practices),
sexual orientation, national origin, ancestry, citizenship, marital status, familial status, age, physical
disability, mental disability, medical condition, genetic information, protected veteran or military status,
or any other characteristic protected by local law or regulation. SunPower is aware of the specific need to
protect minority and indigenous person’s rights in the countries we operate, as such, SunPower respects
the rights of local communities and cultures and attempts to reduce impacts on their ways of life.
SunPower also rejects any limitations on free speech, expression, thought, consciousness, religion, and
association to include collective bargaining. SunPower actively seeks to protect the rights of its workers
by publishing this policy throughout its facilities in local languages, offering human rights trainings, and
listing a complaint line.
Human rights violations by our employees are unacceptable and impermissible pursuant to the principles
and values embodied in our Code of Business Conduct and Ethics (“Code of Conduct”). If employee’s
conduct (or failure to act) is inconsistent with the principles and values embraced in SunPower’s Code of
Conduct, disciplinary action, up to and including termination of employment, may result.
SunPower maintains a zero tolerance policy with respect to corruption, as articulated in our Global Anti-
Corruption Compliance Policy. Our protocols to protect against corruption include providing employee
training and resources, internal controls to prevent and detect violations of our Global Anti-Corruption
Compliance Policy, and carrying out due diligence of third party contractors or suppliers who may interact
with government officials.
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SunPower attempts to hold its suppliers to the same standards as its employees. SunPower does this
through its Supplier Guidelines, which require suppliers to acknowledge this human rights statement and
their responsibility pursuant to it. SunPower is committed to the elimination of human trafficking and
slavery from its direct supply chain. Accordingly, SunPower requires its direct suppliers to certify that they
do not engage in any form of human trafficking and slavery. In order to mitigate the risk of human
trafficking and slavery occurring in its supply chain, SunPower has adopted the following measures:
1. Product Supply Chain Human Trafficking Risk Assessment: SunPower conducts a human trafficking
risk assessment of its supply chain on a yearly basis.
2. Supplier Audits: SunPower retains the right to conduct audits of suppliers to evaluate each
supplier’s compliance with SunPower’s standards regarding human trafficking and slavery in
supply chains.
3. Supplier Certification: SunPower requires direct suppliers to sign a contract amendment verifying
that they are not engaged, either directly or indirectly, in human trafficking or slavery and follow
corresponding local laws.
4. Training: SunPower offers training to its employees and suppliers on human rights that help
identify, mitigate, and report on human trafficking and slavery.
5. Accountability & Management Systems: SunPower states in its contracts with suppliers and in
SunPower’s Commitment to the Elimination of Human Trafficking and Slavery that any violations
of SunPower’s standards, regarding human trafficking and slavery, may result in the termination
of SunPower’s business relationship with a supplier.
The above steps constitute SunPower’s efforts to comply with the California Transparency in Supply
Chains Act and to take required steps under the United Kingdom’s Modern Slavery Act. When applying for
U.S. federal government contracts, SunPower will comply with all anti-human trafficking requirements
outlined in FAR 52.222-50, and will act in the spirit of that law during all other operations. To comply with
SunPower's requirement on human trafficking and slavery, a supplier must operate in full compliance
with laws, rules, and regulations applicable to human trafficking and slavery in the countries in which it
operates, as well as any other applicable laws. Further, SunPower expects its direct suppliers to undertake
the necessary measures to ensure that their direct suppliers do not engage in human trafficking and
slavery.
As a general rule for approaching human rights due diligence, SunPower will follow efforts recommended
by the UN Guiding Principles, which include “assessing actual and potential human rights impacts,
integrating and acting upon the findings, tracking responses, and communicating how impacts are
addressed.” SunPower will use risk-based methods to find locations of high risk for critical issues like
human trafficking, and will maintain the ability to perform further due diligence including audits on
human rights, labor, ethics and corruption concerns.
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SunPower makes all suppliers and business partners aware of its human rights policy and asks them to
respect and follow it or a similar policy. SunPower asks it suppliers to continuously improve their
observance of human rights, recognizing new interpretations and standards that affect their work.
SunPower has consulted with stakeholders both inside and outside the company to develop this policy.
SunPower is especially concerned with views of foreign nationals who work at facilities outside of the
United States.
SunPower’s Chief Operating Officer (COO) is responsible for the execution of this policy and reports to the
Board of Directors on progress against the policy. SunPower’s Sustainability Council, of which the COO is a
member, will review human trafficking concerns in the context of its supply chain with employees who
manage suppliers and form recommendations. SunPower is committed to making all required public
disclosures related to human rights practices, including reporting on use of minerals regulated in by the
Wall Street Reform and Consumer Protection Act (see Conflict Minerals Policy) and disclosures under the
California Transparency in Supply Chains Act.
All current SunPower products are certified Cradle-to-Cradle Certified™ Silver, which requires a social
fairness review covering elements of human rights. SunPower is also investigating other cost-effective
certifications that could bring investors and consumers greater confidence in our human rights practices.
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Appendix 2: Conflict Minerals Policy
SunPower fully supports the goals and objectives of federal legislation in the U.S., under the Dodd-Frank Wall Street Reform and Consumer Protection Act (the “Act”), which aims to prevent the use of “conflict minerals” that directly or indirectly finance or benefit armed groups in The Democratic Republic of the Congo (DRC) or adjoining countries (as defined in the Act). Conflict minerals include: columbite-tantalite (coltan) (i.e., tantalum), cassiterite (i.e., tin), gold, wolframite (i.e., tungsten) or their derivatives (3TG), and could expand to include other minerals or their derivatives, as determined by the U.S. Secretary of State. SunPower is aware that the European Union has reached a political agreement on its own conflict minerals policy, and upon a full reading of the approved law, intends to fully support its goals and objectives. SunPower is committed to avoiding the use of conflict minerals which directly or indirectly finance or benefit armed groups in the DRC or adjoining countries, while continuing to support responsible mineral sourcing in the region. We will immediately suspend or discontinue engagement with suppliers if we identify a reasonable risk that they are sourcing from, or linked to, any party providing direct or indirect support to non-state armed groups. SunPower exercises leadership to address conflict minerals as a member of the Conflict Free Sourcing Initiative (CFSI). SunPower is committed to complying with the reporting obligations required under the Act, as well as the related rules and regulations issued by the U.S. Securities and Exchange Commission, including the requirement that SunPower conduct inquiries into the source of any concerned minerals included in our products. SunPower adopted the CFSI universal reporting template and follows the due diligence process prescribed by the Organization for Economic Cooperation and Development (OECD) to ensure consistent, transparent and responsible sourcing of concerned minerals throughout the supply chain. SunPower expects its suppliers to have conflict mineral policies and due diligence measures that give us reasonable assurance that minerals used are conflict-free, this includes passing the same requirements on to their suppliers. To support this policy, SunPower will:
Carry out due diligence consistent with the OECD’s recommended process;
Require all SunPower suppliers to acknowledge SunPower’s Supplier Sustainability Guidelines which follow the SEIA Solar Commitment, and which include this policy as an annex;
Commit to adopt, widely disseminate, and incorporate this policy in contracts and agreements with suppliers who may source the concerned minerals;
Require concerned suppliers to declare that all products supplied either do not contain 3TG that are necessary to their production or functionality, or, if they do, that they originate from non-conflict areas or from refiners or smelters that have been validated as being conflict-free;
Reserve the right to request additional documentation from suppliers regarding the source of any minerals included in its products, and ask for traceability data to be maintained for a minimum of five years;
Coordinate with other companies, including through CFSI, to create better reporting solutions;
Ensure transparency of the conflict minerals reporting process by making publicly available our reports.
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SunPower evaluates its relationships with its suppliers on an ongoing basis to ensure continued compliance with this policy. Suppliers who do not comply with these requirements may have their existing business relationship with Sunpower terminated, and will be reviewed by SunPower’s supply chain organization for future business. A grievance mechanism exists for reporting violations of the company’s Conflict Minerals Policy. Violations may be reported by calling the Company’s Compliance and Ethics Helpline at 1-866-307-5679.
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Supplier Sustainabil ity Guidelines
Acknowledgement
This acknowledgement and agreement is intended to supplement any and all contracts and agreements
between SunPower and Supplier for the supply of goods or services by Supplier to SunPower Corporation
and its affiliates. Supplier confirms that it has read the SunPower Supplier Sustainability Guidelines and
agrees with its statement of requirements.
Supplier Executive
Signature
Position
Date